. BEFORE THE POSTAL RATE COMMISSION WASHINGTON, DC 20268-0001 Docket No. R2000-1 Postal Rate and Fee Changes, 2000 FIRST INTERROGATORIES OF ALLIANCE OF NONPROFIT TO USPS WITNESS RAMAGE (ANMIUSPS-TZ-l-14) The Alliance interrogatories of Nonprofit and document ANM incorporates by reference Mailers requests (“ANM”) respectfully to USPS witness the instructions MAILERS submits Mark F. Ramage in OCA interrogatories the attached (USPS-T-2). OCAIUSPS-1-14 (filed Jan. 24, 2000). Respectfully submitted, David M. Levy Christopher T. Shenk Sidley &Austin 1722 Eye Street, N.W. Washington, DC 20006-3704 (202j736-6214 Counsel for Alliance of Nonprofit Mailers February 22,200O QUESTIONS ANMIUSPS-Ttl. (a) Please provide a table showing, for each of the fiscal years 1990 through 1999: (a) the total number of IOCS tallies for Cost Segment 3.1, Mail processing, a breakdown and (b) of those tallies into direct tallies, mixed mail tallies, and not handling mail tallies. (b) Provide a similar table for Cost Segment 6.1, In-office Carrier Cost. (4 For each of the same years, please specify the number of direct tallies for Carrier route (“ECR”) commercial ANMIUSPS-T2-2. has increased and nonprofit Standard A (formerly third-class) During the period FY 1990 through FY 1999, the Postal Service the volume of letter mail sorted on automation of flats sorted mail. on mechanized equipment. equipment and the volume At the same time, the percentage of not handling tallies has also increased. (a) Please explain why automation and mechanization have resulted in so many analyses, and more not handling IOCS tallies. Please (b) generated produce all studies, reports similar documents since Docket No. R97-1 that support your response to part (a). ANMIUSPS-TZ-3. Witness Kingsley, USPS-T-lo, describes plans to introduce automated flat sorting equipment mechanized Once all of the AFSM 100s described fully deployed, sorting of flats. the Postal Service’s and reduce the amount of manual and in her testimony do you expect that will result in a further increase in (i) the percentage are of not handling tallies, and (ii) the percentage ANMIUSPS-T2-4. Service’s Witness plans for increased explain how widespread affect the percentages Kingsley, use of robotics deployment also describes and tray management of robotics and tray management the Postal Please systems. systems is likely to Please confirm that within MODS pools, mixed mail tallies are to the classes and subclasses of mail in proportion not confirm, please explain how costs associated ANMIUSPST2-6. the direct tallies. within MODS pools in proportion information with mixed mail to direct tallies, mixed mail tallies to cost estimates for the classes and subclasses If you fail to confirm unconditionally, If you do with mixed mail tallies are distributed. Please confirm that, if the costs associated tallies are distributed add no independent USPS-T-IO, Please explain, of not handling and mixed mail tallies. ANMIUSPS-TZ-5. distributed of mixed mail tallies? of mail. please: (4 Explain fully (b) Explain how the cost distribution can change as the proportion of mixed tallies increases or decreases. (4 Identify any other additional information that you contend is gained from mixed mail tallies. ANMIUSPS-TZ-7. tallies are distributed Please confirm that within MODS pools, “not handling” to the classes and subclasses of mail in proportion If you do not confirm, please explain how costs associated are distributed. -2- mail the direct tallies. with not handling mail tallies . ANMIUSPS-T2-8. Please confirm that, if the costs associated mail tallies are distributed mail tallies subclasses within MODS pools in proportion add no independent information (4 Explain fully (b) Explain to direct tallies, “not handling” to cost estimates of mail. If you fail to confirm unconditionally, how the cost distribution with “not handling” for the classes and please: can change as the proportion of “not handling” tallies increases or decreases. (c) Identify any other additional information that you contend is gained from “not handling” mail tallies. ANMIUSPST29. Please refer to your testimony at page 6, lines 14-20, where you discuss the coefficient of variation (“CV). (a) In terms of the reliability of the mail processing the IOCS, is a mixed mail tally as accurate cost estimates produced by and reliable an indicator of cost as is a direct tally? Please explain fully. (b) are mixed observations? How are mixed mail tallies treated when computing mail tallies included in “n,” where “n” represents If so, please provide the theoretical justification the CV? the total In particular, number of for including the number of mixed mail tallies in “n.” (c) For any given sample size, what effect does the percentage mixed mail tallies have on the CV? -3- or proportion of Cd) particular, How are not handling are not handling number of observations? mail tallies treated mail tallies included when in “n,” where computing the CV? “n” represent If so, please provide the theoretical justification In the total for including the number of not handling mail tallies in ‘In.” (e) For any given sample size, what effect does the percentage or proportion of not handling tallies have on the CV? ANMlUSPS-TZ-10. and Mailhandlers, The 29 Cv’s for Cost Segment shown in your Table 1, range were distributed as follows in BY98 What was the comparable to this question, comparable 3.1 Mail Processing-Clerks distribution in fiscal years 1990 through 1997? you may use a different distribution distributions In responding if you so desire, but please provide for the fiscal years 1990 through 1998. ANMlUSPS-TZ-11. The CVs shown percent to a high of 66.87 percent. use only the point estimates and still provide confidence in your Table 1 range from a low of 0.46 The Postal Service and the Commission, of cost produced by the IOCS. of course, How high can the CV’s be that the point estimate of cost is in fact a reliable indicator of -A- the true cost? ANMIUSPS-TZ-12. Referring to the distribution of CVs shown in ANMIUSPS-T2-9, which of the CVs shown there are would you consider to be so high as to render the cost estimate either unreliable, or likely to result in substantial ANMlUSPS-T2-13. to estimate variation from case to case? USPS witness Sharon Daniel (USPS-T-28) the cost of First-Class Mail, Periodicals, and Standard uses IOCS tallies A mail by weight increment. (a) Can the formula which you use to compute the CV for cost estimates subclass also be used to compute the CV for the cost estimates witness Daniel’s testimony? (b) by by weight increments in Please explain. Please provide the W’s for each weight increment cost estimate developed by witness Daniel, and explain what formula you use for this purpose. ANMIUSPS-TZ-14. specifically USPS witness Sharon Daniel states that the “IOCS was not designed for the purpose of measuring the impact of weight on costs.” USPS- T-28, p, 4, lines 24-28. (a) Do you agree? (b) If your answer to part (a) is anything but unqualified agreement, please explain fully. (c) If the Postal Service contends that the IOCS produces a valid and reliable measure of the effect of weight on costs, please produce all studies, analyses, and similar -5- documents generated since Docket No. R97-1 that support this contention -6- CERTIFICATE I hereby participants certify that I have this day served of record in this proceeding Practice. February 22,200O OF SERVICE in accordance the foregoing with section document on all 12 of the Rules of
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